gov.uscourts.nysd.447706.1328.20.pdf PDF
…v. 15-cv-07433-RWS GHISLAINE MAXWELL, Defendant. --------------------------------------------------X DEFENDANT’S RESPONSE IN OPPOSITION TO MOTION FOR PROTECTIVE ORDER AND MOTION FOR THE COURT TO…
…v. 15-cv-07433-RWS GHISLAINE MAXWELL, Defendant. --------------------------------------------------X DEFENDANT’S RESPONSE IN OPPOSITION TO MOTION FOR PROTECTIVE ORDER AND MOTION FOR THE COURT TO…
…police reports, counsel for Ms. Giuffre immediately informed counsel for Defendant that she would like those documents to be treated as confidential under the Court’s Protective Order (DE 62). Significantly, two of the police reports identify Ms. Giuffre as…
…15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ________________________________/ REPLY IN SUPPORT OF PLAINTIFF’S MOTION FOR PROTECTIVE ORDER AND TO DIRECT THE DEFENDANT TO DISCLOSE ALL INDIVIDUALS TO WHOM DEFENDANT HAS DISSIMINATED CONFIDENTIAL INFORMATION (DE 335) …
…15-cv-07433-RWS v. Ghislaine Maxwell, Defendant. ________________________________/ REPLY IN SUPPORT OF PLAINTIFF’S MOTION FOR PROTECTIVE ORDER AND TO DIRECT THE DEFENDANT TO DISCLOSE ALL INDIVIDUALS TO WHOM DEFENDANT HAS DISSIMINATED CONFIDENTIAL INFORMATION (DE 335) …
UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK --------------------------------------------------X ...... ......................................... VIRGINIA L. GIUFFRE, Plaintiff, v. GHISLAINE MAXWELL, …
…Giuffre. DECLARATION of Sigrid McCawley in Support re: 335 MOTION for Protective Order and Motion for the Court to Motion to Compel Direct Defendant to Disclose All Individuals to whom…
…Accordingly, the Court should enter a protective order and bar enforcement of the subpoena. FACTUAL BACKGROUND Defendant has issued a subpoena for the production of all Ms. Giuffre’s documents associate with her iCloud email account and all emails associated…
…v. 15-cv-07433-RWS GHISLAINE MAXWELL, Defendant. --------------------------------------------------X DEFENDANT’S RESPONSE IN OPPOSITION TO MOTION FOR PROTECTIVE ORDER AND MOTION FOR THE COURT TO…
…those accounts. Accordingly, the Court should enter a protective order and bar enforcement of the subpoena. FACTUAL BACKGROUND Defendant has issued a subpoena for the production of all Ms. Giuffre’s documents associate with her live.com email account, Hotmail…
…Giuffre, hereby files this Notice of Intent to Request Redaction of the November 8, 2017 transcript of proceedings pursuant to this Court’s Protective Order. See Plaintiff’s proposed redactions attached hereto as Sealed Exhibit 1. Dated: November 28, 2017…
…be sealed. The Non-Parties shall include but are not limited to: (a) persons who produced or answered discovery based upon the representation or understanding that the discovery would be subject to the Protective Order previously issued in this action;…
…A.2, I.B. • Acceding to Mr. Dershowitz’s request, and modifying a protective order upon which this Court has already concluded that non-parties relied, will severely undermine non- party confidence in the unsealing process. Handing to Mr. Dershowitz…
…Epstein, Ghislaine Maxwell, and others, certain materials of which have since been filed under seal on this Court’s docket. The late Honorable Robert W. Sweet issued a protective order for the Materials on March 18, 2016. (Dkt. 62). The…
…279, 315, 320 & 335 and to file under seal Exhibit D thereto. The Protective Order governing this case states: Whenever a party seeks to file any document or material containing CONFIDENTIAL INFORMATION with the Court in this matter, it shall…
…Maxwell’s well-founded objections to the release her July 2016 compelled deposition testimony or information concerning various Non-Parties, all of whom relied on the Protective Order issued by the Court. The objections at issue here involve different facts…
…320, & 335 Case 1:15-cv-07433-LAP Document 1156 Filed 11/19/20 Page 2 of 19 TABLE OF CONTENTS PRELIMINARY STATEMENT .................................................................................................1 ARGUMENT ...........................................................…
…Maxwell to file a redacted Letter to the Court and her proposed redactions to Sealed Materials under seal. The Protective Order governing this case states: Whenever a party seeks to file any document or material containing CONFIDENTIAL INFORMATION with the…
…be sealed. The Non-Parties shall include but are not limited to: (a) persons who produced or answered discovery based upon the representation or understanding that the discovery would be subject to the Protective Order previously issued in this action;…
…file a redacted Reply In Support of Her Objections to Unsealing Sealed Materials and to file under seal Exhibits A-D thereto. The Protective Order governing this case states: Whenever a party seeks to file any document or material containing…
…to file her second July 30, 2020 letter on the public docket with redactions. The letter contains certain information deemed confidential pursuant to the Protective Order and that Maxwell redacted in her July 30, 2020 letter. DE 1083. Plaintiff intends…